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The Federal 340B Drug Discount Program: A Primer Andrea G. Cohen Manatt, Phelps & Phillips, LLP Presentation to the National Medicaid Congress June 13,

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Presentation on theme: "The Federal 340B Drug Discount Program: A Primer Andrea G. Cohen Manatt, Phelps & Phillips, LLP Presentation to the National Medicaid Congress June 13,"— Presentation transcript:

1 The Federal 340B Drug Discount Program: A Primer Andrea G. Cohen Manatt, Phelps & Phillips, LLP Presentation to the National Medicaid Congress June 13, 2007 Andrea G. Cohen Manatt, Phelps & Phillips, LLP Presentation to the National Medicaid Congress June 13, 2007

2 2  340B Program Overview  What is it  Who is eligible  Pricing/Discounts and Pharmacy Arrangements  Revenue/Savings Opportunities for Covered Entities  340B and Medicaid  Impact of AMP Changes  Issues to Watch PreviewPreview

3 3 340B Overview – What is it?  Established by Congress in 1992  Requires pharmaceutical manufacturers that contract with Medicaid to provide discounts on outpatient drugs purchased by “covered entities”  Generally, designated safety net providers that receive government funds for safety net mission  Outpatient drugs include physician- administered and patient prescription  Administered by the Office of Pharmacy Affairs (OPA) in the Health Resources and Services Administration (HRSA)  Established by Congress in 1992  Requires pharmaceutical manufacturers that contract with Medicaid to provide discounts on outpatient drugs purchased by “covered entities”  Generally, designated safety net providers that receive government funds for safety net mission  Outpatient drugs include physician- administered and patient prescription  Administered by the Office of Pharmacy Affairs (OPA) in the Health Resources and Services Administration (HRSA)

4 4 340B Overview  “Covered entities” (CEs) include  Federally-qualified health centers (FQHCs) and “look- alikes”  Public and non-profit high-DSH hospitals that have indigent care contracts with state/local governments  DRA added Children’s Hospitals, but inclusion not implemented to date  Ryan White CARE Act grantees  Title X Family Planning/STD clinics  TB and Black Lung Clinics  Urban Indian clinics  Homeless clinics  “Covered entities” (CEs) include  Federally-qualified health centers (FQHCs) and “look- alikes”  Public and non-profit high-DSH hospitals that have indigent care contracts with state/local governments  DRA added Children’s Hospitals, but inclusion not implemented to date  Ryan White CARE Act grantees  Title X Family Planning/STD clinics  TB and Black Lung Clinics  Urban Indian clinics  Homeless clinics

5 5 340B Discounts and Pricing  340B “ceiling” price = rough Medicaid “net” price  AMP – mandatory unit rebate amount (URA) under SSA §1927(c)  CEs can negotiate prices lower than the “ceiling” price on their own or through a statutorily-chartered “Prime Vendor” program  Actual 340B prices may be significantly lower than Medicaid “net” price  “Double rebates” not permitted  Manufacturers cannot be subject to 340B discount and Medicaid rebate on same drug  DSH hospitals not permitted to obtain 340B discount and use Group Purchasing Organization  340B “ceiling” price = rough Medicaid “net” price  AMP – mandatory unit rebate amount (URA) under SSA §1927(c)  CEs can negotiate prices lower than the “ceiling” price on their own or through a statutorily-chartered “Prime Vendor” program  Actual 340B prices may be significantly lower than Medicaid “net” price  “Double rebates” not permitted  Manufacturers cannot be subject to 340B discount and Medicaid rebate on same drug  DSH hospitals not permitted to obtain 340B discount and use Group Purchasing Organization

6 6 Source: Congressional Budget Office. Notes:In this analysis, the list price is the average wholesale price. The “Big Four” are the four largest federal purchasers of pharmaceuticals: the Department of Veterans Affairs (VA), the Department of Defense (DoD), the Public Health Service, and the Coast Guard. Estimated Prices Paid to Manufacturers Relative to List Price, for Brand-Name Drugs Under Selected Federal Programs, 2003

7 7 Impact of AMP Changes  OPA has flip-flopped on issue of whether DRA AMP changes will apply in 340B context  Changes, including exclusion of prompt pay discounts, likely to raise 340B prices overall  OPA January 2007 letter to manufacturers: calculate a separate 340B AMP based on pre-DRA guidance to set ceiling prices  OPA May 2007 letter to manufacturers: you can calculate ceiling prices using the new AMP methodology “until further notice”  Promised more analysis and consideration  OPA has flip-flopped on issue of whether DRA AMP changes will apply in 340B context  Changes, including exclusion of prompt pay discounts, likely to raise 340B prices overall  OPA January 2007 letter to manufacturers: calculate a separate 340B AMP based on pre-DRA guidance to set ceiling prices  OPA May 2007 letter to manufacturers: you can calculate ceiling prices using the new AMP methodology “until further notice”  Promised more analysis and consideration

8 8 340B & Pharmacy Arrangements  CEs have two options to dispense 340B drugs:  Use in-house (outpatient) pharmacies to purchase and dispense 340B drugs  Contract with outside pharmacy to act as dispensing agent  Covered entity “owns” the drugs, but has them shipped to contract pharmacy  Complex recordkeeping/tracking systems required to ensure discount drugs are not diverted to non-CE patients  “Alternative Methods Demonstration” authority allows HRSA to waive one contract pharmacy rule  Some covered entities use several contract pharmacies to dispense 340B drugs  Others have created networks to allow patients a choice of pharmacies  Proposed HRSA rule would allow CEs to contract with multiple pharmacies  CEs have two options to dispense 340B drugs:  Use in-house (outpatient) pharmacies to purchase and dispense 340B drugs  Contract with outside pharmacy to act as dispensing agent  Covered entity “owns” the drugs, but has them shipped to contract pharmacy  Complex recordkeeping/tracking systems required to ensure discount drugs are not diverted to non-CE patients  “Alternative Methods Demonstration” authority allows HRSA to waive one contract pharmacy rule  Some covered entities use several contract pharmacies to dispense 340B drugs  Others have created networks to allow patients a choice of pharmacies  Proposed HRSA rule would allow CEs to contract with multiple pharmacies

9 9 “Patients”  340B drugs may only be dispensed to CE “patients”  What makes a person a “patient”?  CE has relationship with individual such that it maintains a record of the individual’s health care; and  Individual receives health care services from health care professional  Employed by the covered entity, or  Providing services under contractual, referral or other arrangement such that responsibility for care remains with covered entity; and  Services the individual receives are consistent with the covered entity’s grant funding (does not apply to DSH hospitals)  An individual not a "patient" of the entity for purposes of 340B if the only health care service received from the covered entity is the dispensing of a drug or drugs for subsequent self- administration or administration in the home setting.  Proposed Rule to tighten patient definition  340B drugs may only be dispensed to CE “patients”  What makes a person a “patient”?  CE has relationship with individual such that it maintains a record of the individual’s health care; and  Individual receives health care services from health care professional  Employed by the covered entity, or  Providing services under contractual, referral or other arrangement such that responsibility for care remains with covered entity; and  Services the individual receives are consistent with the covered entity’s grant funding (does not apply to DSH hospitals)  An individual not a "patient" of the entity for purposes of 340B if the only health care service received from the covered entity is the dispensing of a drug or drugs for subsequent self- administration or administration in the home setting.  Proposed Rule to tighten patient definition

10 10 340B Offers Savings/Revenues for Safety Net Providers  340B law does not require CEs to pass on discounts to patients or payers  CEs that provide free or reduced price drugs to low- income patients can save money with 340B  Covered entities that bill insurance or government payors for patients’ drugs can make money by using 340B drugs  Medicaid reimbursement poses special issues  340B law does not require CEs to pass on discounts to patients or payers  CEs that provide free or reduced price drugs to low- income patients can save money with 340B  Covered entities that bill insurance or government payors for patients’ drugs can make money by using 340B drugs  Medicaid reimbursement poses special issues

11 11 340B and Medicaid  General rule: drug may not be subject to both 340B discount and a Medicaid rebate  Known as “double dipping”  State may elect to claim Medicaid rebate whenever possible  In that case, covered entities may not use 340B drugs for Medicaid patients  Exceptions where Medicaid reimburses for drugs under bundled per diem or per visit rate and rebate cannot be pursued OR GGGGeneral rule: drug may not be subject to both 340B discount and a Medicaid rebate KKKKnown as “double dipping” SSSState may elect to claim Medicaid rebate whenever possible IIIIn that case, covered entities may not use 340B drugs for Medicaid patients EEEExceptions where Medicaid reimburses for drugs under bundled per diem or per visit rate and rebate cannot be pursued OR

12 12 340B and Medicaid  State may elect to forgo Medicaid rebate and reimburse for 340B drug at 340B acquisition cost + dispensing fee/admin fee  State must evaluate potential for budget savings  Weigh difficulty of pursuing rebates on the back end; value of supplemental rebates; state’s up-front reimbursement rate, etc.  E.g., Massachusetts  Heinz reports – RI and WA state  Impact of DRA and J-codes issues  State may elect to forgo Medicaid rebate and reimburse for 340B drug at 340B acquisition cost + dispensing fee/admin fee  State must evaluate potential for budget savings  Weigh difficulty of pursuing rebates on the back end; value of supplemental rebates; state’s up-front reimbursement rate, etc.  E.g., Massachusetts  Heinz reports – RI and WA state  Impact of DRA and J-codes issues

13 13 340B Participation (As of January 2006) Family Planning Clinics (Title X) Disproportionate Share Hospitals Sexually Transmitted Disease Clinics Tuberculosis Clinics FQHC Look-Alikes, AIDS Clinics, Black Lung Clinics, Hemophilia Treatment Centers, Urban Indian Clinics, Native Hawaiian Health Centers FQHCs N = 12,469  N = 12,469  Covered entities purchased roughly $3.5 billion in drugs in 2003

14 14 Growth in Participating CE Sites Source: Presentation of Jimmy R. Mitchell, RPh, MPH, MS (July 17, 2006)

15 15 Growth in Contracted Pharmacy Arrangements Source: Presentation of Jimmy R. Mitchell, RPh, MPH, MS (July 17, 2006)

16 16 Eligible Health Facilities For 340B Pharmaceutical Discounts as of January 2007 States with Highest Numbers CA – 1116 ID 1074 GA 828 NY 697 Source: NCSL. States and the 340B Drug Discount Program. http://www.ncsl.org/programs/health/drug340b.htm

17 17 340B and State Partnerships  State and local government frequently working with CEs to reduce Rx drug costs for certain populations  Opportunities for government savings on drugs:  Medicaid  State-financed health insurance other than Medicaid (immigrants; childless adults)  Prison populations  Mental health populations  Nursing home residents in publicly-owned facilities  State employees  To take advantage of 340B prices, government- funded populations must still qualify as patients of 340B covered entities  State and local government frequently working with CEs to reduce Rx drug costs for certain populations  Opportunities for government savings on drugs:  Medicaid  State-financed health insurance other than Medicaid (immigrants; childless adults)  Prison populations  Mental health populations  Nursing home residents in publicly-owned facilities  State employees  To take advantage of 340B prices, government- funded populations must still qualify as patients of 340B covered entities

18 TexasTexas  2001 Legislation required University of Texas Medical Branch at Galveston to purchase drugs through 340B for inmates in UTMB managed care program  One contracted pharmacy in Huntsville handles all 340B drug dispensing for inmates  2001 Legislation required University of Texas Medical Branch at Galveston to purchase drugs through 340B for inmates in UTMB managed care program  One contracted pharmacy in Huntsville handles all 340B drug dispensing for inmates 18 Source: 1) Texas State Senate Legislation SB 347. 2) Presentation by Nancy Gast. “Texas Department of Criminal Justice (TDCJ) Managed Care 340B Pricing Initiative”.

19 CaliforniaCalifornia  Recent legislation  Authorizes the Department of Corrections to set up a pilot project to provide drugs for inmates through 340B (AB 77; Signed into law 10/05)  California Performance Review recommends involving the University of California (a covered entity) as the primary provider of health services to California’s inmate population  Requires State DOHS to develop a standard contract for private nonprofit hospitals to facilitate participation in 340B program (SB 708; Signed into law 9/05)  Recent legislation  Authorizes the Department of Corrections to set up a pilot project to provide drugs for inmates through 340B (AB 77; Signed into law 10/05)  California Performance Review recommends involving the University of California (a covered entity) as the primary provider of health services to California’s inmate population  Requires State DOHS to develop a standard contract for private nonprofit hospitals to facilitate participation in 340B program (SB 708; Signed into law 9/05) 19 Source: Official California Legislative Information Web Site. http://www.leginfo.ca.gov/.

20 20 New York  2005 provision requires Medicaid program to purchase 340B drugs  State could not seek Medicaid rebate from manufacturers for 340B drugs  Reimbursement to CEs would be set at acquisition cost plus a dispensing fee  Savings to State were anticipated  State has not yet implemented the provision  Pricing trends in 340B and Medicaid may reduce States’ 340B savings opportunities  2005 provision requires Medicaid program to purchase 340B drugs  State could not seek Medicaid rebate from manufacturers for 340B drugs  Reimbursement to CEs would be set at acquisition cost plus a dispensing fee  Savings to State were anticipated  State has not yet implemented the provision  Pricing trends in 340B and Medicaid may reduce States’ 340B savings opportunities

21 21 Current Issues: Pricing Integrity  AMP and URA are confidential, so CEs and wholesalers can’t assess appropriateness of manufacturer 340B pricing  OIG Report 7/06 found that CEs are paying higher prices for 340B drugs in some cases than the statutory pricing scheme allows  OPA has begun more active monitoring of 340B ceiling prices, with data-sharing with CMS on AMP and URA  Seeking manufacturer voluntary submission of 340B ceiling prices to do comparisons  AMP and URA are confidential, so CEs and wholesalers can’t assess appropriateness of manufacturer 340B pricing  OIG Report 7/06 found that CEs are paying higher prices for 340B drugs in some cases than the statutory pricing scheme allows  OPA has begun more active monitoring of 340B ceiling prices, with data-sharing with CMS on AMP and URA  Seeking manufacturer voluntary submission of 340B ceiling prices to do comparisons

22 22 Current Issues: Diversion to Non- Patients  Notice regarding proposed new “patient” definition recognizes proliferation of CE arrangements that may extend 340B pricing beyond traditional “patient” populations  DSH /CE employees with no clinical relationship  Patients of community physicians with privileges at DSH/CEs  Individuals receiving care management services only sponsored by CE  Notice regarding proposed new “patient” definition recognizes proliferation of CE arrangements that may extend 340B pricing beyond traditional “patient” populations  DSH /CE employees with no clinical relationship  Patients of community physicians with privileges at DSH/CEs  Individuals receiving care management services only sponsored by CE

23 23 Issues to Watch  Impact of AMP pricing changes  New guidance on definition of “patient”  New guidance on use of contract pharmacies  Implementation of expansion to children’s hospitals  Agency enforcement authority  State expansion efforts  Federal proposals to expand reach of 340B and authorize more rigorous enforcement  Impact of AMP pricing changes  New guidance on definition of “patient”  New guidance on use of contract pharmacies  Implementation of expansion to children’s hospitals  Agency enforcement authority  State expansion efforts  Federal proposals to expand reach of 340B and authorize more rigorous enforcement

24 Questions?Questions? Andrea G. Cohen Counsel Manatt, Phelps & Phillips, LLP acohen@manatt.com212-790-4562 Andrea G. Cohen Counsel Manatt, Phelps & Phillips, LLP acohen@manatt.com212-790-4562 24


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